This second appeal addressed the procedural validity of filing a single composite appeal or cross-objections against a common trial court judgment that simultaneously dismissed a civil suit and partly decreed a counter-claim, resulting in two separate decrees. Relying on Supreme Court precedent, the High Court of Himachal Pradesh held that while separate memoranda of appeal are legally required in such scenarios, procedural technicalities should not override substantive justice, and appellate courts must provide an opportunity to cure such defects rather than dismissing the matter outright.
- Maintainability of Composite Appeals: When a trial court disposes of a suit and a counter-claim via a common judgment and draws separate decrees, a single composite appeal or cross-objection by a party is legally improper, and separate memoranda of appeal must be filed.
- Cure of Procedural Defects: Drawing upon the principle in Charan Singh v. Ram Swaroop, the High Court emphasized that courts exist to render justice, and a failure to file separate appeals is a curable defect rather than a fatal one. The first appellate court should have alerted the litigant to rectify the procedural lapse instead of dismissing the case outright.
- Disposal and Directions:
- The second appeal was allowed, and the first appellate court’s judgment and decree were set aside, effectively reviving the first appeal and cross-objections.
- The parties were granted liberty to file separate appeals within the stipulated period, which are to be registered without being barred by limitation.
- Given the prolonged pendency of the litigation originating from the lower courts, the first appellate court was directed to decide the matter afresh on merits within four months.
STPL (Web) 2026 HP 431
Mohammad Hameed v. Narain Singh (Deceased) Through LRs & Ors. (D.O.J. 30.07.2026)
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